MAPERS 2012 Conference. GASB Update July 12, 2012. Presented by: Thomas J. Cavanaugh, FSA, FCA, MAAA, EA CEO Cavanaugh Macdonald Consulting, LLC. Why are there GASB standards?.
An Image/Link below is provided (as is) to download presentationDownload Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author.Content is provided to you AS IS for your information and personal use only. Download presentation by click this link.While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server.During download, if you can't get a presentation, the file might be deleted by the publisher.
E N D
Presentation Transcript
MAPERS 2012 Conference
GASB Update July 12, 2012 Presented by: Thomas J. Cavanaugh, FSA, FCA, MAAA, EA CEO Cavanaugh Macdonald Consulting, LLC
Why are there GASB standards? Ultimately, the Governmental Accounting Standards Board is concerned with how state and local governments present accounting and financial information Reasons behind GASB changes Improve consistency and transparency Enhance decision usefulness of pension information Assist users in evaluating accountability and inter-period equity related to pensions GASB’s authority extends only to accounting and financial reporting, not to funding
Governmental Accounting Standards Board Revised Statements 25 and 27 Standard Statement Financial Reporting for Pension Plans 25 (now 67) 27 (Now 68) Accounting and Financial Reporting for Pensions
Original GASB Statement No. 25Required Reporting for Defined BenefitPension Plans Statement of Net Assets Available for Benefits Statement of Changes in Net Assets Available for Benefits Schedule of Funding Progress Schedule of Employer Contributions Notes to Financial Statements
Original GASB Statement No. 25Basis of Calculations Biennial valuations Use of funding methods and assumptions Include all benefits in liabilities Assumptions follow ASOP No. 4 Consistent inflation assumption Acceptable funding method Market-related asset valuation method 30-year maximum UAL amortization period
Original GASB Statement No. 27Accounting for Pensions by State and Local Governmental Employers Single Employer and Agent Multiple Employer Plans Required Items Annual Required Contribution (ARC) Annual Pension Cost (APC) Net Pension Obligation (NPO) Adjustment to ARC Transition Pension Liability Notes to Financial Statements Cost Sharing Multiple Employer Plans Required Items Pension Expense Liability for Unpaid Contributions Notes to Financial Statements
GASB Review Project Invitation to comment issued in 2009 Issued preliminary views in 2010 Exposure draft issued in July 2011 679 comment letters submitted Many field tests by employers who reported detailed results to GASB GASB conducted hearings in three cities Result was some helpful changes Final statements to be issued this month with effective date for plans for years beginning after June 15, 2013, and for employers for fiscal years beginning after June 15, 2014
Underlying Principles Pensions are part of the exchange between employees and employers Pension plans are part of total compensation Employer incurs a pension obligation as a result of the “employment exchange” Cost (expense) should be recognized in the period services are provided The pension plan is primarily responsible for paying pension benefits to the extent the plan has sufficient assets The employer is primarily responsible for paying benefits to the extent the plan does not have sufficient assets
Revised Statements 25 (now 67)and 27 (now 68) Divorce accounting and funding. Net Pension Liability (NPL) moves to balance sheet of employers. NPL is: Actuarial accrued liability (referred to in statements as Total Pension Liability or TPL) based on Entry Age Normal funding method, less Plan’s Fiduciary Net Position (market value of assets). Annual pension expense (PE) or pension income (!) with no direct relationship to actuarially determined contributions. PE is: EAN normal cost Interest on the NPL Immediate recognition of changes in active and inactive liability due to plan amendments Deferred recognition (over average remaining service life) of changes in active and inactive liability due to assumption changes and actual experience Deferred recognition of investment gains and losses over five years.
Average Remaining Service Life For active employees this is the average time left in years from the valuation date to the expected termination date of the employee. The average varies depending on the demographics of the group and the retirement eligibility of the plan. For general employees an average of 7-10 years is likely. For police/fire groups it may likely be 11-14 years. The twist from GASB is that the average must include the expected service life of the retirees, which is arguably zero. So if a plan has a retiree population equal to its active population, the average remaining service life used in developing PE will be half the active number. This will result in very rapid recognition of experience gains and losses as well as liability changes due to revised assumptions.
New GASB Pension Expense vs. Current GASB ARC
PE as Funding Level? New funding guidelines will have to be developed for plans. The PE cannot be used as it is a backwards looking number and, as shown on the previous slide, it generates much greater volatility. In addition it could be an income item, and funds cannot be withdrawn from the trust.
Revised Statements 25 (now 67)and 27 (now 68) Deferred Inflows and Outflows (DI/O) created. Accounts that hold the unrecognized changes in NPL. Separate line item not included in assets or liabilities but shown on the face of the balance sheet. Extensive footnote disclosure and supplementary information required. For example (10-year schedules are built prospectively with the exception of the ADEC schedule): 10-year schedule of changes in NPL 10-year schedule of TPL, Fiduciary Net Position (FNP) and NPL 10-year schedule of, if calculated, Actuarially Determined Employer Contributions (ADEC) and actual employer contributions 10-year schedule of money-weighted actual rates of return net of investment expenses Method used to determine the long-term investment return rate Real rates of return by asset class and whether they are arithmetic or geometric returns.
Revised Statements 25 (now 67)and 27 (now 68) (cont.) Probably require two actuarial reports, one for funding and one for accounting. Possible involvement of multiple actuaries for systems, employers and auditors.
Calculation and Reporting Timingand Frequency - Plans Reporting Date (RD) – plan’s fiscal year end Measurement Date (MD) – date as of which TPL, FNP and NPL are determined – is the RD Valuation Date (VD) – date as of which total pension liability (TPL) is determined Actuarial valuations must be at least biennial No earlier than 24 months from RD If VD before RD then TPL is rolled forward to RD
Calculation and Reporting Timingand Frequency - Employers Reporting Date (RD) – employer’s fiscal year end Measurement Date (MD) – date as of which TPL, FNP, NPL, PE and DI/O are determined No earlier than previous fiscal year end NPL and PE reported on RD without adjustment Valuation Date (VD) – date as of which total pension liability (TPL) is determined Actuarial valuations must be at least biennial No earlier than 30 months plus 1 day from RD If VD before MD then TPL is rolled forward to MD Timing is to be consistently applied so choose well!
Timing No more than 30 months plus one day No more than one year
Timing Examples VD = MD = RD Most straightforward as long as there is sufficient time to complete the valuation before the financial statements are published VD=MD < RD NPL, PE and DI/O measured by the valuation are reported without adjustment in the financial statements VD < MD <= RD TPL calculated as of VD and rolled forward to MD FNP (market value of assets) measured as of MD Resulting NPL reported without adjustment in the financial statements PE and DI/O determined as of MD and reported without adjustment in the financial statements Most complicated timing situation, so avoid if possible
Timing Examples Example #1: RD = 6/30/15 (employer’s fiscal year end) MD = 6/30/15 VD = 6/30/15 Example #2 RD = 6/30/15 MD = 6/30/14 VD = 6/30/14 Example # 3 RD = 6/30/15 MD = 6/30/14 VD = 6/30/13
Recognition of Significant Changes Significant changes include: Unusual change in liabilities or assets Benefit changes Size or make-up of membership Change in municipal bond rate used to determine the discount rate Anything else that significantly affects the valuation results (e.g., assumption changes) If the change happens between VD and MD, then it must be recognized in NPL as of MD. If the change happens between MD and RD, it must be disclosed along with the impact, if known (e.g., legislative changes that have fiscal notes). If the change happens after RD, but before financial statement is issued, it must be disclosed as a subsequent event.
Timing of Significant Changes If change occurs here recognize in NPL If change occurs here disclose as subsequent event If change occurs here disclose change and impact if available
Assumed Investment Return Based on long-term expected return of assets held in trust unless fund is expected to be depleted before all benefit payments are made. Long Term ROR is net of investment expenses but gross of administrative expenses (administrative expenses will be included in the asset projection as an additional cash outflow item). If that is the case then a blended single rate that is the equivalent of the long-term rate while assets are available and a municipal bond index for the remaining period. Municipal bond index is general obligation non-taxable 20 year bonds with AA/Aa or higher rating.
Projecting Assets In determining whether a single equivalent rate must be calculated, assets need to be projected into the future. Project benefit payments for the closed group of plan participants as of the VD. For employer contributions two conditions are checked: Contributions set statutorily or contractually? Contributions subject to formal, written funding policy? If either condition is met, then look to the past five-year history of compliance and adjust as necessary for the projection. If neither condition is met, then use a five-year average of actual contributions, as a dollar amount, a percent of payroll or a percent of the actuarially determined employer contribution (ADEC). Cannot count normal cost contributions for future hires, but can recognize any UAL payments made based on future hire payroll. No “safe harbor” provided for this determination but there is a bow to the possibility that potential asset depletion date might be calculated through “other” methods.
Interest Rate Example
Ad-hoc COLAs Ad-hoc COLA’s that are “substantively automatic” must be included in determining the Total Pension Liability. In determining this, the historical pattern of granting the changes and the consistency in the amounts are taken into account. Offsetting these would be any evidence that the changes might not continue on the future. Who makes the call? Decision is unclear.
Deferred Retirement Option Plans(DROPs) DROPs are plans that permit employees to freeze their retirement benefit and have the monthly amount contributed to an account while they continue to work. At actual retirement the frozen benefit commences and the balance in the DROP account is paid out in a lump sum. In determining NPL and PE, entry into DROP should be treated as a retirement exit from active status. Active members in DROP on VD should be treated as retired(i.e., inactive). Plan Net Position should include DROP account balances as of MD (with the exception of amounts due but not yet paid). Logical conclusion then is that the DROP account balances should be included in the TPL.
Cost-Sharing Employers Employers will need to report proportionate share of NPL, PE and DI/O. Proportionate share is the individual employer’s projected long-term contribution effort as compared to the total plan contribution effort. If this is not easily obtained, the share may be determined using a basis associated with the manner in which the employer’s contractually required contributions are assessed. For example, if all cost-sharing employers contribute at the same rate of pay, then presumably the ratio of the employer’s payroll to the plan’s total payroll could be used. The impact of changes in the proportionate share from year-to-year will have to be determined and amortized in the same manner as actuarial gains/losses.
Cost-Sharing NPL ImpactSample School Districts
Special Funding Situations Some plans receive contributions from entities other than the employer. These are referred to in the Statements as Governmental Non-employer Contributing Entities (GNCEs). A GNCE is not required to report any portion of NPL, PE or DI/O if: The GNCE has no legal obligation to contribute, or The GNCE’s contribution requirement is defined by a dedicated revenue stream. If one of those conditions is not met, then the GNCE must assume and report a proportionate share of the NPL, PE and DI/O, in a manner similar to that determined for cost-sharing plans.
Final Thoughts The disclosure requirements for both the plan and employers are significant. The effective dates provide some time to develop the templates that will be needed as well as to give GASB staff time to hopefully produce an implementation guide. The changes may not have a big impact on balanced budget requirements, but will most likely affect loan and banking covenants. There do not appear to be any requirements that plans provide detailed information to employers. For cost-sharing employers, who does what will have to be worked out.